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HomeMy WebLinkAbout96-03341 CYNTHIA DIANE JOHNSON, Plaintiff I IN THB COURT OP COMMON PLEAS OP I CUMBBRLAND COUNTY, PBNNSYLVANIA I I 9'-3341 CIVIL TBRM I I I PROTECTION PROM ABUSE v. DONALD CHARLBS JOHNSON, D.fendant IN RBI RBQUEST POR PROTECTIVE ORDER DISMISSED ORDBR OP COURT AND NOW, this 24th day of Jun., 1996, the Def.ndant, Donald CharI.. John.on, through hi. ooun..l having .dmitt.d th.t h. i. not moving back into the .p.rtm.nt whioh P1.intiff 1..... in h.r own name, b..ed on the evidence pre.ented tod.y, we di.miss the r.quest for Protection 'rom Abuse Order. By the Court, n In ~") ~ ell ., LJi.'; ~ '- ~;~J [11/: , ~.~:: ~~ _. ,<rl~ &...- >,'l '" Jg (f ~;. Ul .., r_~:c ,-.-;(" :;? ~jJ , q '!2 ,.>,,\ :.:? "j' - -.j -.' ;- -< M.rcus A. McKnight, III, Esquire Counsel for Plaintiff _ ~ ~..'" "/:u../~,,. Robert L. 0' Brien, Esquire ,;!' ,of. Counsel for Defendant ,slr CYNTHIA DIANE JOHNSON, I IN THB COURT OP COMMON PLEAS OP Plaintiff 1 Ct1M8BRLAND COUNTY, PENNSYLVANIA I v. I 96-3341 CIVIL TBRM 1 DONALD CHARLBS JOHNSON, I Defendant 1 PROTBCTION PROM ABUSB APPEARANCES, TRANSCRIPT OP PROCEEDINGS Proceedings held before the Honorable GEORGE E. P.OPPER, J., Cumberland County Courthouse, Carlisle, Pennsylvania, on Monday, June 24, 1996, in Courtroom Number Three. MARCUS A. McKNIGHT, III, Esquire Por the Plaintiff ROBERT L. O'BRIEN, Esquire Por the Defendant -jl)~ 111 td ORIGINAL 1 MR. McKNIGHT 1 We're ready to proceed, Your 2 Honor. Call Cynthia Johnson to the stand. 3 THB COURT 1 You don' t have any resolution on 4 thh? 5 MR. O'BRIENI No, Your Honor. 6 THE COURT 1 Okay. We're going to be 7 recessing at 11130. We will not be done with the case at 8 that time, so we'll be coming back sometime tomorrow, maybe 9 around noontime. 10 MR. McKNIGHT 1 Okay. We'll do our best, Your 11 Honor. 12 THE COURT 1 Do you want to move ahead with 13 what you have right now? 14 MR. McKNIGHT 1 Sure. 15 THE COURT 1 Do you have anybody here that 16 can't come back? 17 MR. McKNIGHT 1 No. 18 THE COURT 1 Go ahead. 19 CYNTHIA DIANE JOHNSON 20 having been duly sworn, testified as follows 1 21 THE COURT 1 Your name and address, ma'am? 22 THE WITNESSI Cynthia Johnson, 165 Bast High 23 Street, Apartment 1, Cerlisle, Pa. 17013. 24 THE COURT 1 Louder, please. 25 DIRBCT EXAMINATION 3 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 BY MR. McKNIGHT 1 Mr.. Johnson, are you married? Yes. To whom are you married? Donald Johnson. When were you married to Donald? August 21st of '92. When did you and he come to live in the Q A Q A Q A Q apartment? A Q particular? A Q A About a year before that. Now, is the lease in anyone's name in The lease is in my name. His name is not on the lease, is that right? No. Q Does anyone else live with you at the apartment other than -_ My daughter. Now, doe. your husband come and go from the A Q apartment? A Q A Q A He had been, yes. What does he do for a living? He drives truck. For how long is he gone as he drives a truck? Sometime. a whole week and sometime. .everal 4 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 days. Q Now, in recent months, has he been gone much longer than just what you expect from hie truck driving job? A Yes. Q DescribQ for the Court how often he's been gone? A Well, he's been gone lately for several weeks. Q At a timo? A Just this past time, yes. Q Now, was there occasion when he would return home in early June when you had problams when he'd return? A Yes. Q Describe for the Court what happened in early June when he returned home? A He would come home in a mood. I had no idea what mood he was going to be in. He came home and was aoousing me of things that I didn't do, and so we started arguing. And then I threatened to tell the IRS that __ you know, if he didn't stop arguing with me, I threatened to tall the IRS that he hasn't paid texes. And eo he told me that if I ever did that I would never see my daughter or anybody else again. Q When did that happen? A That was on June the 5th. 5 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 Q What did you do after he told you that? A I contaoted the polioe. Q And they oame out to the hou.e, is that correct? A I went to the pOlice station. Q When he indicated to you that you would never eee your daughter or anyone else again, were you afraid when he stated that? A Yes. Q Did you believe him oapable of carrying out such a threat? A Yes, I do. Q Did he then leave the home on June the 5th? AYe.. Q When did he return again? A I believe it was June the 7th. Q What happened on June the 7th? A He came home in a very irate mood. He wa. hollering and screaming at me, calling me name. like -- can I .ay them? Q Sure. A He was calling me a cunt, a whore, things like that, and I just ignored him. I didn't say anything. I was laying on the sofa. He got up and was ecreaming so close to my face I could feel his breath on my face. Then I 6 1 tried to get up. And when I got up, he pushed me back down, 2 and I got up again and went etraight to the phone and dialed 3 911. 4 Q Did he indicate to you why h. was so upset on 5 the 7th, what wae caueing it? 6 A I took it that he didn't want me to leave or 7 make him leave. 8 Q Did he offer any explanation other than that? 9 A No. 10 Q When he came home on the 5th and on the 7th, 11 12 13 14 15 16 you afraid for yourself on that occasion? 17 A Very much so. 18 Q Do you have any sort of physical condition 19 that you suffer from? 20 21 22 23 24 25 did he give you any advance warning that he was coming? A I never would know when he was coming. Q He juet showe Up? A Right. Q When you called the police on the 7th, were A Yes, I do. Q What is it? A It's called fibromyalgia. Q What does that mean? What does that do? A It'. a type of arthritis where you have pain in the tissuee and muscles allover all of the time. 7 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 Q Are you able to work? A Not at this time, no. MR. McKNIGHT 1 Those are all the que.tione I have. CROSS-EXAMINATION BY MR. O'BRIENI Q Mrs. Johnson, on June 5th, you testified that you and he got in an argument and you were threatening to report him to the IRS for not filing or paying taxe.? A Yes. Q What time of the day did this argument ocour? A It wa. in the afternoon. Q When in the afternoon? A It wa. around 3100, 3145. Q Did you call anyone after that argument? A No. I went to the police .tation. Q You walked to the police station? A I didn't eay I walked. I said I went. Q You went to the police station. How did you get there? A Q A Q A I drove. Did anyone go with you? No. Who did you speak with at the police etation? The name should be on the report. 8 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 Q Who did you epeak to at the police station? A An officer. Q A attention. Do you recall hie name? No, sir. I wae so up.et. I didn't pay Q What did the officer do as a result of your going to the police .tation? A Ue fUed a report. Q Did he file any charge. again.t your hu.band? A No. Q Your .tatament wa. that he .aid that you would never .ee your daughter or anyone el.e again, i. that correct? A That'. correct. Q Did he argue over money on that date? A Well, he wae alway. arguing over money, .0 probably, yee, we probably were. Q And he wae upeet becauee you had withdrawn $147.00 from an account, a joint account that the two of you had? A Becauee he had not given me any money, .ir, and I have no income. Q So, in your petition where you eay on June 5th the police were called, that'e incorrect, you actually went to the etation rather than called the station? 9 1 A I went to the station on June the 5th. 2 Q You didn't call the etation? 3 A (WitneBB shakes head negatively.) 4 THB COURT I Shakes her head no. 5 THB WITNESS 1 No. 6 BY MR. 0' BRIEN 1 7 Q Now, you report then two days later, on 8 Friday, June 7th, there was an incident, also? 9 A Correot. 10 Q Your husband had returned home on Friday, and 11 what hour did he return home? 12 A It was in -- I think it was in the afternoon. 13 Q You have alleged that it was about 3130 p.m. 14 that this incident happened where you were on the couch and 15 he pushed you down and you tried to get up? 16 A It wae close -- somewhere aloee to that time, 17 y.. . 18 Q Now, he started yelling at you. Why was he 19 yelling at you? 20 A I guess beoause he wanted to call me a whore 21 and a aunt. 2~ Q You mean he just opened the door and came in 23 and started yelling at you? 24 A That happened frequently, sir. 25 Q Did you oall anyone on that ocoasion? 10 1 A Yes. If you were reading the statement, I 2 got up and dialed 911. 3 Q That's not in the petition. That'. what you 4 are etating in court here? 5 6 7 8 9 10 at Domestic Violence, and I contacted people at Legal 11 Servicee. 12 Q Did you call a friend of yours and make 13 arrangement. to communicate with that gentleman on the 14 Internet at a later time? 15 A Pardon? 16 Q Did you call a gentleman friend and make 17 arrangements to communioate with him on the Internet at a 18 later time? 19 A No. 20 Q Did someone call you at the home? :11 A I don' t believe so. 2:1 Q Was there an argument about your husband 23 taking the dog, Bandit, on June the 7th? 24 A Yes, there was. :IS Q When did that argument occur? A Well, it wae on the pOlice report. Q Ie that the only person that you called? A You mean an official? Q No, I mean any person. A No. I had also -- I a180 oalled the people 11 1 A During the period that he was calling me a 2 whore and a cunt and a bitoh. The dog was laying on my 3 stomach, and he grabbed her. 4 Q The dog's name is Bandit? 5 A Yu. 6 Q And he indicated that he was going to take 7 the dog with him? 8 A Yee. 9 Q And what did you do in response to that? 10 A I told him that the dog wasn't going with 11 him. 12 Q What did he do at that point in time? 13 A He snatched the dog off of my etomach. 14 Q Where is the dog now? 15 A At my place. 16 Q Did he take the dog on June 7th? 17 A No, sir, because I held onto her. 18 Q So, you held onto the dog, and what did your 19 husband do after that? 20 A He snatched the dog away from me, and I had 21 to let go of her or she would have been hurt. So, he sat 22 down on the other sofa and released the dog, and she 23 immediately came back to me. 24 Q What was your huoband doing? Was he yelling 25 at you at that point in time? 12 . 1 :I 3 4 5 6 7 8 9 10 11 1:1 13 14 15 16 17 18 19 20 21 2:1 23 24 25 A Yeah. Q Where were you? A Laying on the sofa. Q You were still laying en the sofa? A Yes. Q You hadn't gotten up to a .eated position or anything like that? A No. Q Why were you laying there rather than running away if you were scared? A Sir, I have a lot of pain most of the time, and I lay down a lot. Q Were you able to move? A To go where? Q To leave the apartment, to get in your oar? A Why? I live there. THE COURTI He meant could you have physically walked out if you wanted to? THE WITNESSI I could have physically, yeah. BY MR. 0' BRIEN I Q So, you could have sat up, stood up and walked away, couldn't you, instead of laying on the couch? A Yeah. Q Then did your husband collect some clothing and leave the apartment? 13 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 A But as I did try to get up off the sofa, that is when he pushed me back. Q Is this before he snatched the dog or after he snatched the dog? A After. Q So, he's sitting in the chair and you're lying on the sofa. And now you're telling us that then you attempted to get up, and that's when he stood up and walked over and pushed you back down? A Yes. Q There are no witnesses to this other than you and he, are there? A That's right. Q What did your husband do, did he then collect clothing and leave the apartment? A r. don't know what he did. I went to the phone. Q Where is the phone? A Beside the couch. Q The couch you were lying on? A Yes. Q So, why don't you know what your husband did? A Because I was in the living room. Q Which direction did he head? A The opposite way, as I was calling. 14 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 Q Did you see him leave the room? A Yes. Q What room did he walk into? A The dining room. Q Did you go through the dining room to leave the apartment? A You go through the dining room to get to any other room in the house. Q So, you don't go through the dining room to leave the house, I take it? A You can, yes, but you can't see any further than the dining room from where I was. Q So, at this point in time you are on the phone and you are calling Domestic Violence, Legal Services and 911? A I dialed 911, sir. I didn't have time to dial anybody else. I was in fear for my life. Q Because he called you some nasty words? A Beoause he had already threatened me that I would never see my daughter or anyone else again. Q Did you file any incident report with the local police in regard to this incident? A Yes. Q And how was that report made? A They came to the house. 15 I i Ii I i 1 ~ ,1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 Q Whose -- who came? A An officer. Q So, this incident report said that he pushed you with two hands? A Yes. Q And you were on the sofa? A I was getting up off the sofa. Q So, he pushed you back and you fell onto the sofa cushions? A That's right. Q How soon after you called the police on the 7th did they arrive? A I don't know, sir. Q You don't know? You can't estimate? A If I estimate, it wouldn't be a correct answer then, would it? Q To the best of your knowledge, how soon after -- A It's not on the report? Q Ma'am, how soon after you called, to the best of your knowledge, did the police arrive? A I don't know, sir. THE COURT I Well, was it within twelve hours? THE WITNESSI Yes, sir. THE COURT. Within six? 16 1 THB WITNESSI Yes, sir. 2 THS COURT I Within two? 3 THB WITNESS. Yes, sir. 4 THB COURT I Wi thin one? 5 THE WITNESS I I'm not sure. 6 THB COURT. All right. 7 MR. O'BRIENI I have no further question.. 8 THE COURT I You may step down. What el.e do 9 you have, Mr. McKnight? 10 MR. McKNIGHT I That's it, Your Honor. 11 THE COURTI Has he moved out of the house? 12 MR. McKNIGHT I I think so. 13 THE COURTI Has he moved out of the house? 14 MR. O'BRIENI He still has his belongings 15 there. The protective order tells him not to go to the 16 house. 17 THE COURTI Does he want to come back in the 18 apartment? 19 MR. O'BRIENI He would like to come into the 20 apartment and collect his belongings. 21 THE COURTI Does he want to move back into 22 the apartment? 23 THE WITNESSI No, sir. 24 THE COURTI Does he want to move back into 25 the apartment? 17 1 MR. O'BRIEN. No, sir. 2 THB COURTI What do we we need a protective 3 order here for, Mr. McKnight? He'. not coming back into the 4 apartment. 5 MR. McKNIGHT I We've had no idea until now. 6 If he is not coming back, then fine. 7 THE COURTI Is that what you want to do, move 8 out, get your stuff, and he's not coming back? Is that it, 9 Mr. O'Brien? 10 MR. O'BRIEN. Yes, sir. 11 THE COURTI Do we really need a protective 12 order here, Mr. McKnight? This is pretty thin stuff. 13 MR. McKNIGHT. I would certainly, I think 14 it's appropriate that he doesn't have to admit any 15 responsibility for what happened as long as he agrees not 16 to __ if he has moved out and he is not going to come 17 around, that's fine. The lease is in her name. I think 18 that's fine. 19 THE COURT. You are resting? 20 MR. McKNIGHT I We are resting, Your Honor. 21 (The following Order was entered by t~e 22 Courtl) 23 "AND NOW, this 24th day of June, 1996, the 24 Defendant, Donald Charles Johnson, through his counsel 25 having indioated that he is not moving back into the 18 . 1 apartment which Plaintiff lease. in her own name, ba.ed on 2 the evidence presented today, we dismi.. the reque.t for 3 Protection from Abu.e Order." 4 THE COURT 1 You should make your arrangement. 5 through coun.el here to get your stuff out of the apartment, 6 .ir. And if you have a mind to change your po.ition about 7 moving back into the apartment, I strongly urge you to let 8 Mr. O'Brien know what you have up your sleeve .0 that he cen 9 communicate that to your wife's lawyer. Let'e have a little 10 peace and quiet here. Court is adjourned. 11 MR. McKNIGHT. Thank you, Your Honor. 12 (Court was adjourned at 11130 a.m.) 13 14 15 1~ 17 18 19 20 21 22 23 24 25 19 CERTIFICATION I hereby certify that the proceedings are oontained fully and accurately in the notes taken by me on the above cause and that this ie a correct transoript of same. _~ ~7dv .-/ Susan L. Rice Official Stenographer ---------------------------------- The fo~egoing record of the proceedings on the hearing of the within matter is hereby approved and directed to be filed. ll:1.h(" e E. offer, J. c , ') ~) , l.; , " , , -'."', c' ~ -- . ~ ::11 , , ", t- .' 'In " . }l'J I - ;~) , ,j .,1, 0, -- , n 01 ,-.', , , 20 ii 1 j ! CYNTHIA DIANi: JOHNSON, Petitioner : IN THE COURT OF COMMON PLEAS OF : CUMBERLAND COUNTY, PENNSYLVANIA CIVIL ACTION . LAW 96-33~ I CIVIL TERM PROTECTION FROM ABUSE v. DONALD CHARLES JOHNSON, Respondent TEMPORARY PROTECTIVE ORDE~ AND NOW, this .tJ..~ay of June, 1996, upon presentation and consideration ot'the within Petition, and upon finding that Cynthia Diane Johnson, now residing in Cumberland County, Pennsylvania, is in immediate and present danger of abuse from the respondent, Donald Charles Johnson, the following Temporary Order is entered: The respondent, Donald Charles Johnson, whose current address is 165 East High Street, Apt #1, Carlisle, Pennsylvania 17013, is hereby enjoined from physically abusing the petitioner. Cynthia Diane Johnson or her daughter, Cynetha Harrison, or placing her in fear of abuse and is ordered to stay away from any location where she may reside. The respondent is hereby notified that if he fails to follow this Order, he may be in indirect criminal contempt which is punishable by a fine not to exceed $1,000.00 and/or by a sentence of up to six months in jail and any other appropriate punishment. Resumption of co-residence on the part of the petitioner and the respondent shall not nu1li/}' the provisions of the court order directing the respondent to refrain from abusing the petitioner. This Order shall remain in elfe,'iuntil a final order is entered ~n this case, A hearing shall be held on this mailer on the -lJ/-f'rAy of June, 1996, at ~. in Courtroom No. \ 11. Cumberland County Courthouse, Carlisle, pennsYlvani:,7 ,ft- r'. ? '. #-> 11/ ft() ~~ ~:~ ;; f211 .". 11:-1") ~;. ..1,; (',,' C'" ;CJ ,;", J ,~ .J' . cJ ~~, ; :' ,1:11 .'i:, 'i.. ".." -,..n ); l,. ~,:") ~:,~ rn -, ~:j -I ~ ~J ...." w ___ . The Cumberland County Sheriffs Office shall attempt to make service at the petitioner's request, but service may be accomplished under any applicable rule of Civil Procedure. The rospondent is hereby excluded from the residence of the petitioner, located at 165 East High Street, Apt #1. Carlisle, Pennsylvania 17013. He is hereby ordered to stay away from said residence. The PeMsylvania State Police, Carlisle Substation, Warden of the Cumberland County Prison, Sheriff of Cumberland County, the District Justice of Carlisle, and the Carlisle Police Department will be provided with a copy of this Order by attorneys for petition. This Order shall be enforced by any law enforcement agency where a violation occurs by arrest for indirect criminal contempt without warrant upon probable cause that this Order has been violated, whether or not the violation is committed in the presence of the police officer. In the event that an arres'l is made under this section, the respondent shall be taken without unnecessary delay before the court that issued the Order. When that court is unavailable, the respondent shall be arraigned before the appropriate district justice. (23 Pa.C.S.A. ~6113). BY THE COURT, J. 2 () .c<' .. . (1/:' . .:!~.~. .1 c~) -:. ;::.::. .,::-, .'" :;':;""<0_' ..lo ....-..,. ::".: ''") C) r r~ ....... .' .' n '1 .::/ " 'I_'!) C'J . " 1Ii; ....f1,':1 .,6 . .)':;g ,'::if1 ,-..;;.' CYNTHIA DIANE JOHNSON, Petll/oner : IN THE COURT OF COMMON PLEAS OF : CUMBERLAND COUNlY, PENNSYLVANIA CIVIL ACTION - LAW v. DONALD CHARLES JOHNSON, Respondent 96- CIVIL TERM PROTECTION FROM ABUSE PETITION FOR PROTECTIVE ORDE~ AND NOW comes the Petitioner, Cynthia Diane Johnson, by her attorneys, Irwin, McKnIght & Hughes, Esquires and presents this petition for a protective order under the Protection from Abuse Act, 23 Pa.C.S,A. Section 6101 et seq" representing as follows: 1. The Petitioner is Cynthia Diane Johnson, an adult individual presently residing at 165 East High Street, Apt #1, Carlisle, PeMsylvania 17013. 2. The Respondent is Donald Charles Johnson, an adult individual residing at 165 East High Street, Apt # 1, Carlisle, PeMsylvania 17013. 3, The parties were married on August 21, 1992, in Hagerstown, MlU)'land. There were no children born of this marriage but they reside with Cynetha Harrison, born 8/26/79, age 16, who Is the daughter of the petitioner, but not the respondent. 4 4. For the past three (3) years, the respondent has engaged in much violence toward the petitioner including physical and mental abuse of the petitioner and severe mental abuse of the Cynetha Harrison. 5. The respondent's acts of violence include but are not limited to the following: a. On or about June 5, 1996, the respondent verbally abused the petitioner and threatened to kill her. The police were called. b. On Friday, June 7, 1996 at 3:30 P,M., thr. respondent verbally abused the petitioner by standing over her when she was resting on the couch and shouting in her face. When the Petition allempted to sit up, the respondent physically pushed her back onto the sofa. 6. The petitioner desires exclusive possession of the marital residence to live with her daughter without interference from the respondent. 7. Petitioner avers that she is in fear of serious bodily injury by the respondent to herself and her daughter, Cynetha Harrison. 5 WHEREFORE, Petitioner respectfully requests this Honorable Court to enter an order providing that : a. Respondent shall refrain from abusing. threatening with violence, harassing or visiting the Petitioner and her daughter In any manner for a period of one (I) year from the date of the Order of Court; b. Respondent shall be excluded from the apartment of the petitioner located at 165 East High Street, Carlisle, Pennsylvania 17013 and any other residence where the Petitioner may reside; and c. Such other relief as this Court deems necessary. Respectfully submItted, mWIN, McKNIGHT & HUGHES By: West Pomfret Profeulonal Building 60 West Pomfret Street Carlisle, Pennsylvania 17013 (717) 249-2353 ;-. Date: June /.J, 1996 6 VERIFICATION The foregoing Petition is based upon infonnatlon which has been gathered by my counsel and myself in the preparation of this document. The language of the document may in part be the language of my counsel and not my own. I have read the statements made in this document and to the extent that they are based upon infonnation which I have given to my counsel, they are true and correct to the best of my knowledge, infonnation and belief. To the extent that the contents of the statements are that of counsel, I have relied upon counsel In making this verification. I understand that false statements herein made are subject to the penalties of 18 Pa.C.S.A. Section 4904, relating to unsworn falsification to authorities. ~ ~J!' - NTHIA NE JOHNSON Date: June /3.10\, 1996 . fr; \() 'h "l (":. ~~\'i ,'J . '.~ rti:J . : '~,'.~~~' . ~r; '.: - @'. ~';:.J I '. .") ..... }".::.... I~"] G:'l;: :::': . -:~ 1-., t' /;r~' , I" .. ..~.... 1.'-:' ':f~ ) .., (L) -. 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